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Hutchison Telecommunications and Singapore Tech. Telemedia Agree to Acquire Global Crossing
PR Newswire ^ | Friday August 9, 10:15 am Eastern Time

Posted on 08/09/2002 8:46:14 AM PDT by flamefront

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To: Kennard
Do they have the wherewithal internally or did they need and get third party financing?

Hutchison seems to levitate financially in a business where everyone else is bust. I suspect it is more the opacity of Chinese financial reporting than anything else, and when China goes bust, it will be a very very large mess indeed.

61 posted on 08/10/2002 7:58:08 AM PDT by eno_
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To: flamefront
expected to occur in early 2003 subject to obtaining regulatory approvals

Thanks for the head's up. This is not good. There are basically two ways this could be stopped by the feds (if they want to):

1. action by the FCC (see http://www.fcc.gov).

2. action by the Treasury Department, under "CFIUS" (Committee on Foreign Investment in the United States): http://www.treas.gov/offices/international-affairs/exon-florio/index.html

Committee on Foreign Investment in the United States (CFIUS) ------------------------------------------------------------------------

U.S. DEPARTMENT OF TREASURY

OFFICE OF THE ASSISTANT SECRETARY INTERNATIONAL AFFAIRS

OFFICE OF INTERNATIONAL INVESTMENT

EXON-FLORIO PROVISION

Introduction. The United States has traditionally welcomed Foreign Direct Investment (FDI) and provided foreign investors fair, equitable and nondiscriminatory treatment with few limited exceptions designed to protect national security. The Exon-Florio provision is implemented within the context of this open investment policy. The intent of Exon-Florio is not to discourage FDI generally, but to provide a mechanism to review and, if the President finds necessary, to restrict FDI that threatens the national security.

The Exon-Florio provision is implemented by the Committee on Foreign Investment in the United States ("CFIUS"), an inter-agency committee chaired by the Secretary of Treasury. CFIUS seeks to serve U.S. investment policy through thorough reviews that protect national security while maintaining the credibility of our open investment policy and preserving the confidence of foreign investors here and of U.S. investors abroad that they will not be subject to retaliatory discrimination.

The Statute. Section 5021 of the Omnibus Trade and Competitiveness Act of 1988 amended Section 721 of the Defense Production Act of 1950 to provide authority to the President to suspend or prohibit any foreign acquisition, merger or takeover of a U.S. corporation that is determined to threaten the national security of the United States. The President can exercise this authority under section 721 (also known as the "Exon-Florio provision") to block a foreign acquisition of a U.S. corporation only if he finds:

(1) there is credible evidence that the foreign entity exercising control might take action that threatens national security, and

(2) the provisions of law, other than the International Emergency Economic Powers Act do not provide adequate and appropriate authority to protect the national security.

To assist in making this determination, Exon-Florio provides for the President or his designee to receive written notice of an acquisition, merger or takeover of a U.S. corporation by a foreign entity. Once CFIUS has received a complete notification, it begins a thorough review of the notified transaction. In some cases, it is necessary to undertake an extended review or "investigation." An investigation, if necessary, must begin no later than 30 days after receipt of a notice. Any investigation is required to end within 45 days.

Information provided by companies contemplating a transaction subject to Exon-Florio is held confidential and is not made public, except in the case of an administrative or judicial action or proceeding. Nothing in section 721 shall be construed to prevent disclosure to either House of Congress or to any duly authorized committee or subcommittee of the Congress.

Factors To Be Considered. The Exon-Florio provision lists the following factors that the President or his designee may consider in determining the effects of a foreign acquisition on national security. These factors are:

(1) domestic production needed for projected national defense requirements;

(2) the capability and capacity of domestic industries to meet national defense requirements, including the availability of human resources, products, technology, materials, and other supplies and services;

(3) the control of domestic industries and commercial activity by foreign citizens as it affects the capability and capacity of the U.S. to meet the requirements of national security; (

4) the potential effects of the transaction on the sales of military goods, equipment, or technology to a country that supports terrorism or proliferates missile technology or chemical and biological weapons; and

(5) the potential effects of the transaction on U.S. technological leadership in areas affecting U.S. national security.

Amendments. Section 837(a) of the National Defense Authorization Act for Fiscal Year 1993, called the "Byrd Amendment," amended Section 721 of the Defense Production Act (the "Exon-Florio provision"). It requires an investigation in cases where:

o the acquirer is controlled by or acting on behalf of a foreign government; and

o the acquisition "could result in control of a person engaged in interstate commerce in the U.S. that could affect the national security of the U.S."

Legislative Cite. Section 721 of Pub. L. 100-418, 102 Stat. 1107, made permanent law by section 8 of Pub. L. 102-99, 105 Stat. 487 (50 U.S.C. App. 2170) and amended by section 837 of the National Defense Authorization Act for Fiscal Year 1993, Pub. L. 102-484, 106 Stat. 2315, 2463.

CFIUS

Executive Order. The Committee on Foreign Investment in the United States ("CFIUS") was originally established by Executive Order 11858 in 1975 mainly to monitor and evaluate the impact of foreign investment in the United States. In 1988, the President, pursuant to Executive Order 12661, delegated to CFIUS his responsibilities under Section 721. Specifically, E.O. 12661 designated CFIUS to receive notices of foreign acquisitions of U.S. companies, to determine whether a particular acquisition has national security issues sufficient to warrant an investigation and to undertake an investigation, if necessary, under the Exon-Florio provision. This order also provides for CFIUS to submit a report and recommendation to the President at the conclusion of an investigation.

In 1993, in response to a sense of Congress resolution, CFIUS membership was expanded by Executive Order 12860 to include the Director of the Office of Science and Technology Policy, the Assistant to the President for National Security Affairs and the Assistant to the President for Economic Policy. This order brought the membership of CFIUS to eleven under the chairmanship of the Secretary of Treasury. The other members are the Secretaries of State, Defense, and Commerce, the Attorney General, the Director of the Office of Management and Budget, the U.S. Trade Representative, and the Chairman of the Council of Economic Advisers.

Regulations. The Exon-Florio provision requested that the President issue implementing regulations. These regulations were issued in 1991. They set up a voluntary system of notification with the possibility of CFIUS member-agency notice for non-notified transactions. The President retains full authority to protect the national security with respect to any acquisition covered by this statute, regardless of whether the parties file a notification.

The Exon-Florio regulations do not define national security. The preamble to the regulations provides guidance that products, services and technologies important to U.S. defense requirements would be significant to national security. Even though notification is voluntary, CFIUS would consider notification of these transactions appropriate.

Code of Federal Regulations Citation. Office of International Investment, Department of Treasury -- Regulations pertaining to mergers, acquisitions, and takeovers by foreign persons, 31 CFR Part 800.

Procedures. Treasury, acting at the staff level through the Director of the Office of International Investment in the Office of the Assistant Secretary of International Affairs, acts as the secretariat for CFIUS. It receives and circulates notices to CFIUS agencies and coordinates reviews. Reviews are conducted on a case-by-case basis.

The Exon-Florio statute established a 30-day review following receipt of a notification. For those transactions for which an extended 45-day review (or "investigation") is completed, a report must be provided to the President, who must by law announce the final decision within 15 days. In total, the process can not exceed 90 days. The statute requires the President to inform Congress of his determination of whether or not to take action under section 721.

The parties to an acquisition subject to section 721 may submit a voluntary notice to CFIUS of the proposed or completed acquisition by sending 13 copies of the information requested in part 800.402 of the Exon-Florio regulations to:

Ms. Gay Hartwell Sills Staff Chair Committee on Foreign Investment in the United States ("CFIUS") Office of International Investment Department of Treasury 1500 Pennsylvania Avenue, N.W., Room 4201 NY Washington, DC 20220

Phone: (202) 622-9066

Also: (202) 622-1860 E-Mail: gay.sills@do.treas.gov    

62 posted on 08/10/2002 8:02:29 AM PDT by pttttt
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To: b4its2late
What by slowing disconnecting the network??? I'm not sure you know much about computers here so I'm gonna have to ask you to tell me. As far as panama goes.. well if you are talking about sabatoge that would be a concern of course.. nothing that a few minor repairs couldn't muster though.
63 posted on 08/10/2002 9:53:34 AM PDT by Almondjoy
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To: spyone
For a "spyone" you are pretty clueless about how friendly big telecom carriers are with their respective national security agencies. And these days, with tremendous fiber capacity, duplicating and intercepting traffic is both easy and cheap (sifting it for important stuff is still challenging).
64 posted on 08/10/2002 5:40:46 PM PDT by eno_
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To: spyone
He is an extremely astute investor. $250 million for these assets, to me, is unbelievable. Where was warren buffet or bill gates on this?

And that is the billion dollar question of the day. Something very fish about this giveaway deal.

65 posted on 08/10/2002 6:30:19 PM PDT by PoisedWoman
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To: eno_
I don't think I am at all. The point I was raising is there is alot of misinformation on this company and individual at this site. Ever rock you turn over doesn't result in conspriracy. Your post on whether they need outside financing of $250million tells me i am debating with a financial neophyte and so i am signing off.
66 posted on 08/10/2002 10:08:04 PM PDT by spyone
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To: spyone
You have me confused with someone else. Never said anything about $250M, which is, AFAIK, the price they paid, but that must be exclusive of assumed debt.
67 posted on 08/11/2002 4:43:40 AM PDT by eno_
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To: eno_
when China goes bust

I hope your prediction is correct. It will demonstrate that economics can overwhelm state control.

68 posted on 08/11/2002 7:55:00 PM PDT by Praxeologue
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